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2008 (1) TMI 221 - AT - Service TaxServices of life insurance - auxiliary insurance service - point of dispute is with regard to whether certain payments which represent allowable reimbursement paid to the agents in the form of club expenditure, are includible in taxable value or not - CBEC in their letter dated 9-2-04 has given deduction of certain expenses like travelling allowance etc. for service tax purposes - Prima facie, we find that the appellants’ case is backed by Board’s clarification – stay granted
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